Do you honestly expect people to accept that you are too dense and unable to address the documented evidence here that this is your only thoughts or reaction and answer to what was posted?
What documented evidence? You didn't provide any, did you?
No, that would have been me... I think Nosir Myzing was just asking Artiste about her response to it.
Apparently you are trying to explain how our subpoenas of December 6 and 12, 2007, really could be issued after the plaintiffs' motions of Dec. 18, 2007, and June 25, 2008. Lots of luck.
I can't see that anyone said that here, Bob, because NO ONE DID.
By the way, you quote above where Jerrie Hayes refers to a proposed protective order she submitted "as part of Plaintiffs’ 26(f) Report." Could you please provide a link to where one can actually read that document as it was sumitted to the court with that report? Hint: see Doc. 18 at http://www.3abnvjoy.com/mad-07cv40098/. Then quote for us the actual text of that proposed order. Hint: Jerrie never submitted any such proposed protective order with the 26(f) report.
Since the parties couldn't agree and file a joint report, how about I quote you and Gailon Joy instead from your separate filing that same exact day -way back in July of 2007?
Defendants further assert that the Plaintiffs’ proposed STIPULATED PROTECTIVE ORDER GOVERNING CONFIDENTIALITY is a contempt of the Honorable Court and a veiled effort to impound discovery grossly violating the clear order of the court as the Plaintiffs continue their efforts to sidestep local rule 7(a) in an effort to avoid full disclosure to the contributing public.
And how about I quote from Jerry Hayes letter to you way back in Nov of 2007:
...These materials, however, include extremely sensitive and confidential business information and will not be disclosed by Plaintiffs without a protective order in place.
Plaintiffs circulated a proposed protective order as part of their proposed 26(f) Report.
Please review it and let me know if you are in agreement as to its terms and will stipulate to it governing this case. If not, we will need to negotiate a mutually agreeable protective and confidentiality order prior to your inspection of and prior to Plaintiffs' disclosure of the materials at issue. Please let me know if you no longer have a copy of Plaintiffs' proposed Protective Order and I will forward another for your review....
Please stop pretending the issue never came up until after you filed your subpoenas. It is not the truth and is actually deceptive, Bob as you are giving the wrong impression to others..